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Description

TX0813T2-description

This panel will address the Internal Revenue Service’s use of the administrative summons, including the authority for issuing a summons, when a summons will be issued, notice that must be provided to the taxpayer, defenses that may be raised by the taxpayer and the recipient, IRS options in the event of noncompliance, the role of IRS counsel and the Tax Division, and recent cases involving enforcement, including the recent 11th Circuit decision for which the Solicitor General is currently considering filing a petition for writ of certiorari to the Supreme Court.


Speakers

TX0813T2-speakers

William E. Taggart, Jr., William E. Taggart PC, Oakland, CA (Moderator)

Lu-Ann Dominguez, Gunster, Ft. Lauderdale, FL

Robert L. Welsh, Trial Attorney, Tax Division - U.S. Department of Justice, Washington, DC

William E. Farrior, Trial Attorney, Tax Division - U.S. Department of Justice, Washington, DC

Adam L. Flick, Senior Counsel, Internal Revenue Service SB/SE Division, Dallas, TX


   
The ABCs of Summons Enforcement Including Recent Developments
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